Memorandum Findings of Fact and Opinion
The Commissioner determined the following income tax deficiencies: $10,390.95 for 1954, $9,165.37 for 1955, $9,378.19 for 1956 and $24,526.96 for 1957.
One issue for decision is whether the petitioner is entitled to deduct for 1956 and 1957 amounts deducted and allegedly spent in those years for repairs and other expenses of rental property.
Another issue for decision is whether amounts paid in 1954, 1955,...
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